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Insurance companies and their distribution partners, including banks, multi–finance companies, and digital platforms, should take note of a new circular letter issued by Indonesia’s Financial Services Authority on the marketing of insurance products.
On 2 October 2020, Indonesia’s Financial Services Authority (Otoritas Jasa Keuangan or OJK) issued Circular Letter No. 19/SEOJK.05/2020 on distribution channels for insurance products (Circular Letter 5/2020).
Circular Letter 5/2020 provides more guidelines for insurance companies and their distribution partners on the marketing of insurance products, and on how they may use electronic systems and channels such as social media. While the circular letter provides guidelines on various types of distribution channels, it is particularly helpful in giving more clarity on the requirements that are applicable to cooperation with non–bank business entities. Prior to this, there had been lack of express guidance from OJK on such type of cooperation. Although a draft circular letter on such type of cooperation was made available by OJK in 2018, it was never finalised.
While Circular Letter 5/2020 is intended for insurance companies, in practice, distribution partners including banks, multi–finance companies and digital platforms that partner with insurance companies will all need to ensure compliance.
We set out in this article some of the key issues covered by Circular Letter 5/2020.
WHEN DID IT COME INTO EFFECT?
On 2 October 2020, but businesses are given 12 months to adjust their existing activities and cooperation arrangements.
WHAT ARE THE PERMITTED DISTRIBUTION CHANNELS?
WRITTEN AGREEMENTS
Circular Letter 5/2020 requires a written agreement between the insurance company and its insurance agents and distribution partners (both banks and non–banks).
There must be an Indonesian language version of the agreement. If there is a foreign language version, the Indonesian language version will prevail.
MARKETING KITS
In marketing insurance products, parties may only use the marketing kit and product information summary prepared or approved by the insurance company.
USE OF ELECTRONIC SYSTEMS
ADDITIONAL GUIDELINES ON COOPERATION WITH NON-BANK BUSINESS ENTITIES
MORE GUIDELINES FOR CORPORATE AGENCIES
CONSUMER PROTECTION AND DATA PRIVACY
Circular Letter 5/2020 emphasises the requirement to comply with applicable consumer protection and data protection laws and regulations, including the requirement to inform customers in writing of any data privacy breach.
COMPLIANCE WITH OTHER REGULATIONS AND GUIDELINES
Insurance companies and their partners must also comply with other applicable regulations and guidelines, such as:
Partner
Senior International Counsel
Senior International Counsel
Senior International Counsel
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